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20121201
20121231
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moore. this is an important issue in your bill is still needed. now the cftc proposed rule is helpful. there's no question they have created an exception for enter affiliate swaps that applies to nonfinancial end-users. the problem is there are two key issues, two problems not addressed by the cftc will. everyone, nonfinancial end-users have an eight step process or a criteria process financial users must meet and what criteria is posting margin between affiliates. again, if you have been a post variation merger between affiliates, the whole point behind an exemption from clearing requirements is defeated because your costs are roughly similar if you have the margin. second and very importantly there are lots of companies in your district and throughout the country that have treasury hedging centers in the cftc will doesn't do anything to exempt trade. if you have a nonfinancial end-user facing the market, if what that hedging centers set up to do this and turned to swaps, that hedging center would be a financial entity. so now you have a financial to financial swap is not eligible fo
Search Results 0 to 0 of about 1